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3. Produce each and every document identified by defendants in defendants' response to <br /> Interrogatory No. 7. <br /> 4. Produce each and every document identified by defendants in defendants' response to <br /> Interrogatory No. 10. <br /> 5. Produce each and every document identified by defendants in defendants' response to <br /> Interrogatory No. 12. <br /> 6. Produce each and every document identified by defendants in defendants' response to <br /> Interrogatory No. 14. <br /> 7. Produce each and every document identified by defendants in defendants' response to <br /> Interrogatory No. 16. <br /> 8. Produce each and every document identified by defendants in defendants' response to <br /> Interrogatory No. 19. <br /> 9. Produce each and every document identified by defendants in defendants' response to <br /> Interrogatory No. 21. <br /> 10. Produce each and every document identified by defendants in defendants' response <br /> to Interrogatory No. 23. <br /> REQUESTS FOR ADMISSION <br /> 1. Admit that Louis LaGiglia is the Creditors' Trustee under MCR's liquidation plan. <br /> 2. Admit that Louis LaGiglia as the Creditors' Trustee has a fiduciary obligation to <br /> manage property subject to the Creditors' Trust in a prudent manner. <br /> 15 <br />